Subprime Mortgage Lending - Expanded Guidance
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by: Jane A. Smith
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Keywords: Definition , Of , Subprime , Lending , Subprime , Mortgage , Lending , history , of , subprime , lending ,
This Expanded Guidance clearly defined for the first time the criteria used to decide whether a potential borrower will be classified as "prime" or "subprime." It states that at least one of these issues will characterize a borrower as subprime when the person applies for a loan:
· Low credit score
· Bad credit history, including
· collection accounts
· repossessions
· late payments of invoices
· bankruptcy
· debts that have been written off as uncollectable, called "charge-offs"
· high ratio of debt to income
· decreased ability to pay off the loan.
Further, the document describes these attributes of the subprime borrower:
· has a Fair Isaac Corporation (FICO) credit score of less than 660;
· has collection activity, liens, charge-offs, or judgments within the past two years;
· within the past year, has had two late payments;
· within the past two years, has made a payment that was more than 60 days late;
· has a ratio of debt to income of at least 50%;
· has declared bankruptcy in the past five years;
· has been assigned a score by another credit rating service that would equate to a FICO score of 660.
All lenders use these standards to identify subprime borrowers. Bear in mind that even if you have a FICO score that is better than 660, you will still be considered a subprime borrower if you possess a single one of the attributes listed above.
Expanded Guidance offers a clear definition of lending practices to be considered "predatory." The agencies in no way insinuate that predatory lending practices characterize all subprime lenders. In fact, it is their belief that benefits for both the borrower and the lender come from using subprime loans that are administered properly. Nonetheless, the public should be made aware that predatory lending practices do exist, and that borrowing at subprime may leave them vulnerable to such practices. In predatory lending, the exchange between borrower and lender is very unequal: the lender gets the borrower's money and the borrower gets not much of anything!
Most predatory lending practices fall into three categories.
· Many car loans and housing mortgages are made based on assets pledged by the borrower as collateral, rather than on the borrower's actual ability to fulfill the debt.
· "Loan flipping" occurs when a lender coerces or talks a borrower into refinancing a mortgage, at no advantage to the homeowner, but at great advantage to the lender, who may collect sizeable fees for the transaction.
· Failing to reveal to the borrower all the hidden fees and costs of a loan, and concealing information or providing fraudulent information to the borrower.
· Very often, these practices are perpetrated on vulnerable borrowers, like the elderly, minority homeowners, or low-income families. In many cases, these people would actually have qualified for a mortgage at prime rates; but they are at a disadvantage because of their lack of knowledge.
If you are thinking of borrowing at subprime for a mortgage, you should familiarize yourself with the 2001 Expanded Guidance for Subprime Lending. It is available on the Internet, and is definitely worthwhile reading. It laid a fine foundation for further definition of the responsibilities of subprime lenders and the needs and rights of subprime borrowers.
About the Author
Uncover the secrets behind Subprime Auto Lending and how Subprime Lending Crisis can affect you and your family when you visit number #1 internet resources on subprime mortgage lending crisis at http://www.subprimelendingcrisis.com
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